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Home / Simons-Taxes /IHT, trusts and estates /Part I3 Lifetime transfers /Division I3.5 Calculating the IHT on lifetime transfers /Double charges relief / I3.560 Double charges relief—non-deductible debts
Commentary

I3.560 Double charges relief—non-deductible debts

IHT, trusts and estates

The IHT (Double Charges Relief) Regulations 1987 reg 61 relieves from double charges in circumstances such as the following: A makes a gift to B or makes a gift into a settlement with B as trustee. A then borrows money from B and after that dies. The original gift is a chargeable transfer, either as a result of A's death within seven years of it or because it is a chargeable transfer from the outset. A's debt to B is not deductible for IHT purposes from A's death

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